Policy gaps and unsafe products!
The Real Hair Truth Documentary Blog!.
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The Real Hair Truth Documentary Blog!.
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Proper labeling is an important aspect of putting a cosmetic product on the market. And this is a big topic in our next Documentary. FDA regulates cosmetic labeling under the authority of both the Federal Food, Drug, and Cosmetic Act4 (FD&C Act) and the Fair Packaging and Labeling Act5 (FPLA). These laws and their related regulations are intended to protect consumers from health hazards and deceptive practices and to help consumers make informed decisions regarding product purchase.
It is illegal to introduce a misbranded cosmetic into interstate commerce, and such products are subject to regulatory action. Some of the ways a cosmetic can become misbranded are:
No. FDA does not have the resources or authority under the law for pre-market approval of cosmetic product labeling. It is the manufacturer’s and/or distributor’s responsibility to ensure that products are labeled properly. Failure to comply with labeling requirements may result in a misbranded product.
Before proceeding with a discussion of labeling requirements, it is helpful to know what some labeling terms mean:
No. As part of the prohibition against false or misleading information, no cosmetic may be labeled or advertised with statements suggesting that FDA has approved the product. This applies even if the establishment is registered or the product is on file with FDA’s Voluntary Cosmetic Registration Program6 (VCRP) (see 21 CFR 710.8 and 720.9, which prohibit the use of participation in the VCRP to suggest official approval). False or misleading statements on labeling make a cosmetic misbranded [FD&C Act, sec. 602; 21 U.S.C. 362].
Be aware that promoting a product with claims that it treats or prevents disease or otherwise affects the structure or any function of the body may cause the product to be considered a drug. FDA has an Import Alert in effect for cosmetics labeled with drug claims7. For more information on drug claims, refer to Is It a Drug, a Cosmetic, or Both? (Or Is It Soap?)8.
If a product is an over-the-counter (OTC) drug9 as well as a cosmetic, its labeling must comply with the regulations for both OTC drug and cosmetic ingredient labeling [21 CFR 701.3(d)]. The drug ingredients must appear according to the OTC drug labeling requirements [21 CFR 201.66(c)(2) and (d)] and the cosmetic ingredients must appear separately, in order of decreasing predominance [21 CFR 201.66(c)(8) and (d)]. Contact the Center for Drug Evaluation and Research10 (CDER) for further information on drug labeling.
All labeling information that is required by law or regulation must be in English. The only exception to this rule is for products distributed solely in a U.S. territory where a different language is predominant, such as Puerto Rico. If the label or labeling contains any representation in a foreign language, all label information required under the FD&C Act must also appear in that language [21 CFR 701.2(b)].
The following information must appear on the principal display panel:
The following information must appear on an information panel:
Mr. Michael Brady
CEO, Oill LLC dba Brazilian Blowout
6855 Tujunga Ave.
Nortb Hollywood, CA 91605
Dear Mr. Brady,
The purpose of this letter is to alert you to an issue that has been brought to the attention of the Occupational Safety and Health Administration (OSHA). OSHA has become aware of your August 24, 2011, letter sent to salon owners. The letter states, and your website implies, that “all OSHA and independent air-quality tests conducted on the Brazilian Blowout Professional Smoothing Solution, as well as all others in this category, have yielded results well-below even the most stringent ofOSHA standards (AL, PEL, STEL).” Please be advised that we disagree with this statement.
Earlier this year, an OSHA inspection at a salon found that workers using Brazilian Blowout Acai Professional Smoothing Solution were exposed to formaldehyde levels that exceeded OSHA’s 15-minute short term exposure limit (STEL) of2 ppm. A citation was issued to the employer after OSHA inspectors conducted air sampling. This is only one example, but there are other instances where OSHA investigations have found exposures to formaldehyde exceeding legal limits in workplaces applying professional hair smoothing solutions. Further, OSHA’s laboratory performed analysis of bulk samples of your product, which revealed significant levels of methylene glycol (known to release formaldehyde) to be present. Pursuant to 29 CFR 1910.1048, the agency requires manufactures of products that contain or potentially release fomlaldehyde to include information about the chemical and its hazards on the label and in the material safety data sheets. Hazards associated with formaldehyde must be listed if it is present in the product at 0.1 % or more (as a gas or in solution) or if the product releases formaldehyde into the air above 0.1 parts per million.
It is improper to provide misleading information or make misrepresentations regarding OSHA, or to use the agency’s name to promote a private enterprise, product, or service. When such use comes to our attention, we insist that any and all implied or stated references to OSHA are discontinued immediately. Therefore, we request that you take the following corrective action:
Attached please find OSHA’s hazard alert on hair smoothing products that could release formaldehyde. Thank. you for your attention to this very important matter.
Sincerely,
Frank Meilinger, Director
Office of Communications
After months of polemics over the safety of hair straighteners containing high concentrations of formaldehyde, the Cosmetic Ingredient Review Expert Panel (CIR), classified formaldehyde and methylene glycol as “unsafe under present conditions of use” in these products.
The CIR Expert Panel gathers scientists, dermatologists, pharmacologists and toxicologists, under the aegis of the U.S. Personal Care Products Council, with the mission to independently and scientifically assess the safety of ingredients used in cosmetics in the U.S. The Panel assessed the safety of formaldehyde and methylene glycol at the request of FDA, The Real Hair Truth, and the Personal Care Products Council after a succession of safety alerts regarding hair straightening treatments with high formaldehyde levels.
The Expert Panel noted that the safety of methylene glycol and formaldehyde in hair straightening products depends on a number of factors, including the concentration of formaldehyde and methylene glycol, the amount of product applied, the temperature used during the application process, and the ventilation provided at the point of use. The Panel concluded that under present practices of use and concentration, formaldehyde and methylene glycol are unsafe in hair straightening products. “In no case should the formalin [1] concentration exceed 0.2% (w/w), which would be 0.074% (w/w) calculated as formaldehyde or 0.118% (w/w) calculated as methylene glycol,” said the CIR.

“CIR reached its conclusion after a comprehensive review of the available safety data and information and a robust discussion of this difficult and complex issue. We support the panel’s findings,” said Jay Ansell, Council scientist and vice president of cosmetic programs at the Personal Care Products Council.
The panel also concluded that formaldehyde and methylene glycol are safe for use as a preservative in cosmetics at minimal effective concentration levels and that do not exceed established limits and are safe in nail hardening products in the present practices of use and concentration (1 – 2%). However, the Panel did note that “the present practices of use of nail hardeners do include instructions that admonish users to limit application of the material to the nail, allow it to dry fully, and to not get the material on the skin.”
It is now up to the FDA to decide whether or not to restrict the use of these substances in cosmetic products placed on the US market.
Special interviews with Jay Beecher, Gene Martignetti, Governmental Agenys FDA, OSHA, and many many more.
DO YOU KNOW WHAT IS IN YOUR PRODUCTS?
Release date Spring 2013
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